UK Care No 1 Limited v The Commissioners for HMRC

UK Care No 1 Limited v The Commissioners for HMRC

The portion of the loss claimed by UKC1 that reflects changes in market conditions and unamortised issue costs prior to migration is referable to the pre-migration period and is disallowed under section 327 CTA 2009. The penalty element arising from the early redemption decision post-migration is not referable to...

Source-derived case information.

Parties
Appellant: UK Care No. 1 Limited; Respondent: The Commissioners for His Majesty’s Revenue and Customs
Jurisdiction
England and Wales
Procedural Posture
Tax Appeal / First Tier Tribunal Judgment
Outcome
appeal allowed in part, dismissed in part
Legal Topics
Corporation Tax, Loan Relationships, Imported Losses, Statutory Interpretation, Section 327 Corporation Tax Act 2009
Tax Law Corporate Law Corporation Tax Loan Relationships Imported Losses Statutory Interpretation Section 327 Corporation Tax Act 2009

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Parties

UK Care No. 1 Limited

Appellant

The Commissioners for His Majesty’s Revenue and Customs

Respondent

Procedural Posture

Tax Appeal / First Tier Tribunal Judgment

  1. 1 Whether the loss claimed by UK Care No. 1 Limited is referable to a time when the company was not subject to UK taxation under section 327 CTA 2009
  2. 2 Whether the loss includes an expense for the purposes of section 327 CTA 2009

Ratio Decidendi

The portion of the loss claimed by UKC1 that reflects changes in market conditions and unamortised issue costs prior to migration is referable to the pre-migration period and is disallowed under section 327 CTA 2009. The penalty element arising from the early redemption decision post-migration is not referable to the pre-migration period and is allowable. Section 327 applies to both losses and expenses.

Court Disposition

appeal allowed in part, dismissed in part

Orders

  • The sum of £56,845,205 is allowed as a loan relationship debit.
  • The balance of £93,903,841 is disallowed under section 327 CTA 2009.